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IDENTIFYING AND MOVING LEVERS
OF ACCEPTANCE AND UPTAKE
OF RECOMMENDED QUALITY-ASSURED
PAEDIATRIC ACTS
FOR NONCOMPLICATED MALARIA
IN SIX FRANCOPHONE AFRICA COUNTRIES
Dr Florence Camus-Bablon
November 2012
1
Abstract
Since the late 1990s, global health donors have channelled significant funding to develop new drugs
for malaria, TB, HIV-AIDS, and neglected diseases. As part of this focused effort to make up for years
of neglect, the WHO has encouraged both drug development partnerships and national policy
makers to prioritize improvements in therapies for paediatric patients. In the case of malaria, where
children comprise approximately 90% of all malaria deaths, the urgency of this WHO advocacy work
is particularly relevant.
The good news is that in the past 4 years, new WHO-recommended options for treating children with
uncomplicated malaria have emerged from drug development pipelines, and at least two more child-
friendly drugs for malaria should emerge in the next 2–3 years.
However, as has been the case with the introduction of improved therapies in the past, it may take
several years before these new treatments become widely available in target countries. These delays
are the result of a combination of factors that include national processes for revising policy,
acceptance by prescribers, drug distribution chains, and patient awareness and understanding of
therapeutic improvements.
This study is built on an analysis of six francophone countries in West and Central Africa to determine
the most critical barriers to the acceptance and uptake of recommended quality-assured drugs for
the treatment of malaria in children. Borrowing from a WHO-endorsed framework to assess barriers
to essential medicines, it draws out common themes across all of the target countries and makes
recommendations for interventions that could remove some of the more critical barriers to
acceptance and uptake of new therapies for the treatment of malaria in children.
Key findings include:
• Policy and regulatory barriers, as new medicines still need to be included into some national
essential medicine lists and treatment guidelines, and drug market approval policy should
facilitate a better alignment of the antimalarials used with WHO recommendations,
particularly in the private sector;
• Drug supply financing and adequate supply chain monitoring represent a significant barrier;
• The lack of sensitization and prioritization of quality-assured products, particularly in the
private sector, is an important barrier;
• Lack of demand by health-care professionals – and willingness to change prescribing patterns
– remains a barrier to acceptance;
• Patient acceptance of new improved medicines for children can be positively influenced if
proper dispensing information accompanies the distribution of these medicines.
The findings from this independent consultancy study are intended to inform Medicines for Malaria
Venture (MMV) about possible areas of support that could be undertaken with local, regional and
international partners to address these barriers and to support improved acceptance of WHO-
recommended paediatric medicines for malaria.
2
Table of contents I. ABBREVIATIONS ................................................................................................................................... 3
II. THE EVIDENCE ..................................................................................................................................... 4
A. WHO and UNICEF recommend quality solid paediatric ACTs to treat children .......................... 4
B. Quality-assured paediatric ACTs have been developed .............................................................. 5
C. Suboptimal treatments are still used to treat malaria in children .............................................. 5
III. KEY BARRIERS TO THE USE OF RECOMMENDED QUALITY-ASSURED SOLID PAEDIATRIC ACTS & LEVERS OF CHANGE 9
A. Policy – National Essential Medicines List: from evidence to policy ........................................... 9
A1. Standard treatment guidelines ............................................................................................... 10
A2. National Essential Medicines List and local national malaria protocol ................................... 10
A3. Levers of change for consideration ......................................................................................... 12
B. Regulatory: from policies to regulations ................................................................................... 13
B1. Appropriate regulatory standards ........................................................................................... 13
B2. Relevant products licensed ..................................................................................................... 13
B3. Levers of change ...................................................................................................................... 14
C. Manufacturing & supply: consistent quality supply .................................................................. 15
C1. Procurement and supply chain functionality .......................................................................... 16
C2. Products available at health facility level ................................................................................ 19
C3. Levers of change ...................................................................................................................... 19
D. Financing: quality-assured paediatric ACTs affordable for all involved .................................... 20
D1. Pricing system ......................................................................................................................... 21
D2. Affordable to payer ................................................................................................................. 22
D3. Levers of change ..................................................................................................................... 23
E. Health professionals: from policy to practice ........................................................................... 23
E1. Health professionals aware, trained and available ................................................................. 24
E2. Levers of change ...................................................................................................................... 26
F. Monitoring & evaluation ........................................................................................................... 26
G. Acceptability by communities ................................................................................................... 28
G1. Community awareness of diseases, treatments & timing to seek care.................................. 28
G2. Patient access to care via HBM ............................................................................................... 29
G3. Levers of change ..................................................................................................................... 29
IV. WHAT CAN MMV DO NOW? ............................................................................................................... 30
A. Priorities .................................................................................................................................... 30
B. Proposed interventions ............................................................................................................. 31
B1. Sensitize and advocate for recommended quality-assured paediatric ACTs .......................... 32
B2. Facilitate the availability & prioritization of quality-assured paediatric ACTs ........................ 33
B3. Facilitate a better alignment of the antimalarials used with national guidelines and WHO
recommendations ......................................................................................................................... 34
B4. Set up or strengthen functional national PV system ............................................................... 34
B5. Contribute to strengthening the supply chain ........................................................................ 34
V. CONCLUSION ......................................................................................................................................... 35
VI. APPENDIX: METHODOLOGY .................................................................................................................. 36
3
Acknowledgement: The author is grateful to all the partners and many interviewees for their time
and their support for this survey. We particularly would like to thank the National Malaria Control
Programme coordinators and teams, the WHO country teams, and the WHO EMP in Geneva, Drs
Gilles Forte, Suzanne Hill, Magali Babaley and Lisa Hedman. In addition, we express gratitude to the
Global Fund, WHO GMP, RBM, UNICEF and the MMV access team for their guidance and support.
This report was prepared by an independent consultant; the recommendations expressed are those of
the author, and do not necessarily reflect the views of MMV.
I. ABBREVIATIONS
ACT Artemisinin-based combination therapy
AL Artemether-lumefantrine
ALMA African Leaders’ Malaria Alliance
API Active pharmaceutical ingredient
AQ Amodiaquine
AS Artesunate
ASAQ Artesunate + amodiaquine
ASMQ Artesunate + mefloquine
AS-SP Artesunate + sulfadoxine-pyrimethamine
DHA-PQP Dihydroartemisinin-piperaquine
FDC Fixed-dose combination
GFATM Global Fund to Fight AIDS, Tuberculosis and Malaria
HBM Home-based management
HP Health professional
IDA International Development Association
MS Market share
NEML National Essential Medicines List
NMCP National Malaria Control Programme
NMRA National Medicines Regulatory Agency
PGHT Wholesalers’ prices
PMI United States President’s Malaria Initiative
PP Public prices
PV Pharmacovigilance
RBM Roll Back Malaria
RDT Rapid diagnostic test
SP Sulfadoxine-pyrimethamine
UN United Nations
UNICEF United Nations Children’s Fund
USAID United States Agency for International Development
WHO World Health Organization
WHO EMP World Health Organization – Essential Medicines and Health Products
4
II. THE EVIDENCE
A. WHO and UNICEF recommend quality solid paediatric ACTs to treat children
ACTs are recommended to treat noncomplicated P. falciparum malaria.
Although a significant decrease was seen in recent years, the number of cases of malaria in the WHO
Africa region was still estimated at 174 million in 20101. There were between 655,000 and 1.2 million
deaths globally2, 86% of them in children below 5, and 91% in the WHO Africa region
1. Malaria
accounts for 24% of total child deaths in sub-Saharan Africa2. The WHO recommends the use of
artemisinin-based combination therapies (ACTs) and advocates for the withdrawal of oral
artemisinin-based monotherapies from the market3. The global number of ACT treatment courses
procured increased to over 200 million in 2010, yet 25 countries, mostly in the African region, were
still allowing the marketing of artemisinin-based monotherapies1. In addition, many countries allow
the use of amodiaquine (AQ) or sulfadoxine-pyrimethamine (SP) monotherapy to treat
noncomplicated P. falciparum malaria. Five ACTs are recommended by the WHO: artemether-
lumefantrine (AL), artesunate + amodiaquine (ASAQ), artesunate + mefloquine (ASMQ), artesunate +
sulfadoxine-pyrimethamine (AS-SP) and dihydroartemisinin-piperaquine (DHA-PQP)1.
In addition, UNICEF and the WHO recommend the
use of quality-assured solid paediatric ACT
formulations to treat children: solid formulations are
the only quality-assured paediatric ACTs to date – a
quality-assured ACT is defined as either WHO
prequalified and/or authorized for marketing by a
Stringent Drug Regulatory Authority4.
Recently, the Better Medicines for Children project,
funded by the Gates Foundation and coordinated by
WHO EMP, convened expert advisers who suggested
that paediatric treatments should use a solid platform
technology (multiparticulate solid, including those that
could be dispersed to form a liquid dose), rather than
oral liquids5. The WHO has issued guidance
discouraging countries from using oral liquids (either powders reconstituted with water or syrups) to
treat malaria in children. This is primarily because of concerns about the inherent instability of these
1 World Malaria Report 2011 accessed 2/1/12 at
http://www.who.int/malaria/world_malaria_report_2011/WMR2011_noprofiles_lowres.pdf 2 Source C Murray, Lancet, Volume 379, Issue 9814, Pages 413–431,accessed on 5/2/12 at
http://www.lancet.com/journals/lancet/article/PIIS0140-6736%2812%2960034-8/fulltext 3WHO briefing on Malaria Treatment Guidelines and artemisinin monotherapies, 2006
4 Through WHO’s Standard Treatment Guidelines, Prequalification List, and Essential Medicines Programme
5 Report of the Informal Expert Meeting on Dosage Forms of Medicines for Children, 2008, accessed at
http://www.who.int/selection_medicines/committees/expert/17/application/paediatric/Dosage_form_reportDEC2008.pdf
and Hill S, Yang A, Bero L (2012) Priority Medicines for Maternal and Child Health: A Global Survey of National Essential
Medicines Lists. PLoS ONE 7(5): e38055. doi:10.1371/journal.pone.0038055
Frequently used liquid paediatric antimalarials in
francophone Africa
5
products, specifically those containing AS6, as well as the difficulty in ensuring consistency in dosing;
also, concerns regarding high cost of storage and transport are often cited. The lack of stability is
exacerbated when partial dosing is administered and the remainder of a liquid formulation is set
aside for subsequent use despite the rapid degradation of the active pharmaceutical ingredient (API).
In addition, suspensions are reconstituted with a larger amount of water compared to solid
formulations, and this water may not be well suited for consumption. Recently, M. Ramharter’s
meta-analysis clearly indicates the superior efficacy of paediatric ACTs compared to non-ACT
formulations for children; this work also shows diminished gastrointestinal side effects compared to
those seen when children take conventional ACT tablet formulations7.
B. Quality-assured paediatric ACTs have been developed
Today, the following three ACT treatments are WHO prequalified and considered suitable for
children in the relevant dosage form: Soluble ASAQ fixed-dose combination (FDC), dispersible AL and
ASMQ FDC. Additional dispersible AL generics and paediatric formulations of other ACTs are in
development but not yet WHO prequalified. The following ACTs are likely to have child-friendly
formulations submitted for WHO prequalification: DHA-PQP and pyronaridine-artesunate (status of
dossier assessment is available at http://apps.who.int/prequal/).
Despite this guidance and subsequent Global Fund to Fight AIDS, Tuberculosis and Malaria
(GFATM) change of rules, large numbers of prescribers and patients in many francophone African
countries continue to use nonrecommended antimalarials to treat children, including
monotherapies, antimalarials of varying quality and syrups and suspensions. This study seeks to
understand the barriers and potential levers to facilitate the adoption of paediatric ACTs that are
both recommended and quality assured, to treat noncomplicated malaria in children in
francophone Africa.
C. Suboptimal treatments are still used to treat malaria in children
According to National Malaria Control Programme (NMCP) evaluations, IMS Health
(http://www.imshealth.com/portal/site/ims/), surveys and interviewees in the target countries, few
children benefit from correct malaria case management, i.e. with a recommended quality-assured
paediatric ACT:
1) There is a significant «informal» unregulated private sector where many drugs of poor quality
may be found, including treatments based on chloroquine, which is no longer appropriate for the
treatment of P. falciparum.
2) Many products from multiple manufacturers are sold in the regulated private sector that don’t
follow the national malaria policy, including AQ and SP monotherapy, widely (and inappropriately)
used to treat P. falciparum malaria in children.
3) The majority of antimalarials available on the market are not quality assured.
6 Source: accessed 26/7/11 at http://www.essentialdrugs.org/edrug/archive/200503/msg00046.php and
http://archives.who.int/eml/expcom/expcom15/applications/paediatrics/paed_meds/arte_lumefantrine.pdf 7 F Kurth, M Ramharter, et al, The Lancet Infectious Diseases, 2010: 10, 2, Pages 125–132,accessed on 12/2/12 at
http://www.thelancet.com/journals/laninf/article/PIIS1473-3099(09)70327-5/abstract
6
4) Many children with fever receive a treatment that was retained at home from past treatment,
which is particularly problematic with liquid formulations, given their instability and rapid
degradation of API.
5) Although solid paediatric formulations are being adopted, syrups and suspensions are still a
preferred formulation for children by many providers and patients.
Remarkable progress has been achieved in malaria control in some countries over the last decade,
particularly in in the public sector. Senegal for instance witnessed a reduction of 41% in all malaria
cases and 30% in under 5 mortality from malaria between 2005 and 20098. In Benin, the PNLP
performance reviews indicates that 95.5% of children under 5 with fever received an antimalarial in
line with the national malaria policy in the public sector in 20119. However, malaria is still the main
cause of morbidity and mortality in francophone Africa, especially in children under 5, and overall,
relatively few children benefited from correct malaria case management in recent surveys. Only
about 5% of febrile children under 5 received an ACT as antimalarial therapy in Burkina Faso10
, 8% in
Mali11
, and 20% in Benin12
, only 25% benefited from correct case management within 24 hours in
Gabon13
. In Benin, the public sector distributes 46% of all ACTs and 68% of all “WHO�approved”
ACTs7,14
used in the country. Since the public sector distributes only 5% of all antimalarials in Benin,
patients often don’t get ACTs in the private sector.
Chloroquine is largely found in the “informal” unregulated private sector along with many drugs of
poor quality, and AQ monotherapy is still often used to treat noncomplicated P. falciparum
malaria. Chloroquine was provided to about 20% of the children who received an antimalarial in
Mali9 and Senegal
15, and 51% in Benin
10 in 2008. In Benin, in the private sector, nonartemisinin
monotherapies accounted for a total of 91% of treatment courses sold in a 2009 outlet survey; the
breakdown was primarily as chloroquine (54%), followed by quinine (29%) and SP (8%); ACTs
accounted for 8% of treatments sold, and artemisinin monotherapies for less than 1%16
.
Nonartemisinin monotherapies were also the first antimalarial sold by registered wholesalers in 2008
in Benin with 56% market share (MS; SP 50%, quinine 3%, other 3%) versus 43% for ACTs (AL [19%]
followed by AS-SP [12%], DHA-PQP [7%], ASAQ [5%] of sales volumes); but there, contrary to the
outlet’s survey, chloroquine sale by wholesalers was insignificant11
. AQ monotherapy ranged from
2% of febrile children under 5 who received an antimalarial in Benin7, to 6% in Mali
9 and 12% in
8 RBM Progress and impact focus on Senegal accessed 10/11/11 at
http://www.mmv.org/sites/default/files/uploads/docs/publications/RBM_progress_and_impact_series4.pdf 9 Revue de performance du PNLP Mars 2011, accessed 23/1/12 at
http://www.rbm.who.int/countryaction/aideMemoire/Benin-The-malaria-program-performance-review-2011.pdf 10
Source Enquete démographique et de santé et à indicateurs multiples (EDSBF-MICS IV) 2010 – Preliminary report
http://www.measuredhs.com/pubs/pdf/PR9/PR9.pdf accessed on 13/12/11 11
Enquête sur la prévalence de l’Anémie et de la Parasitémie palustre chez les enfants (EA&P) au Mali 2010; Klénon Traoré
et al, accessed 14/08/11 at http://www.measuredhs.com/pubs/pdf/FR245/FR245.pdf 12
ACT Watch, Household Survey Report (Baseline), 2009, accessed 23/1/12 at
http://www.actwatch.info/downloads/results/Benin%20Household%20Baseline,%20ACTwatch%2012-09.pdf 13
Objectifs du millénaire pour le développement, 2010, accessed 2/1/12 at
http://www.undp.org/africa/documents/mdg/gabon_september2010.pdf 14
ACT Watch “The private commercial sector distribution chain for antimalarial drugs in Benin”, 2009, accessed on 23/1/12
at
http://www.actwatch.info/downloads/results/Rapid%20assessment%20of%20private%20AM%20distribution%20chain%20
-%20Benin%20November%202009.pdf 15
Source Enquete nationale sur le paludisme 2008–2009
http://www.measuredhs.com/pubs/pdf/MIS5/MIS5[revised30Sep2009].pdf accessed 10/11/11 16
ACT Watch Outlet Survey 2009, accessed on January 23, 2012 at
http://www.actwatch.info/downloads/results/Benin%20OS2%20Report%20-2009.pdf
7
Burkina Faso8; it was, however, rarely found in Senegal (less than 1%)
13. K. O’Connell et al. found
comparable results in a survey in five sub-Saharan Africa countries, where nonartemisinin
monotherapies were widely available in over 95% of outlets compared to less than 25% carrying first-
line quality-assured ACTs; ACTs accounted for less than 25% of the total antimalarial sold17
.
In addition, many children with fever receive a treatment already stored in the home as a leftover
from prior administrations: 45% in Senegal13
and 30% in Benin10
.
Most antimalarials available on the market don’t comply with international recommendations with
regards to quality: for instance, 37% of the ACT and SP samples failed in Cameroon in 200818
, and
over 40% in Senegal19,20
. In K. O’Connell’s survey, quality-assured ACT volumes represented less than
6% of the total MS in the private sector. In M. Ramharter’s survey, only 2 among 15 different
paediatric ACTs were WHO prequalified21
. All authors of these surveys stress the need to improve
the quality of currently marketed paediatric ACTs as a public health priority, along with
strengthening the registration process and postmarket surveillance.
In the formal private sector, many different products are sold, from multiple manufacturers and of
varying quality; many don’t follow national policies and syrups and suspensions are largely used. The
IMS Health22
data below show the consolidated average annual sales in volume in ten francophone
Africa countries in 2010 in the regulated private market23
:
API (in 000) Total (%) WHO prequalified products
24 (%) Lead product
AL 5,374 (45%)
Approximately 1,500 (28%)
Coartem® 1171
Lumet® 200
Artefan® 140
Lumartem® 38
Coartem® 1171
SP 2,501 (21%) - Maloxine® 863
ASAQ 1,402 (12%)
Total 598 (43%)
Coarsucam® 531 (only FDC)
Larimal® 47
Falcimon kit® 20
Camoquin Plus® 557
DHA-PQ 907 (8%) - Malacur® 517
AS-SP 738 (6%) - Coarinate® 719
ASMQ 646 (5%) 516 (approximately 80% = adult form) Artequin® 646
AQ 372 (3%) - Camoquin® 332
TOTAL 11,940 2,615 (22%)
17
Kathryn A O'Connell et al, Malaria Journal 2011, 10: 326, accessed 15/2/12 at
http://www.malariajournal.com/content/10/1/326 18
Survey of the quality of selected antimalarial medicines circulating in six countries of sub-Saharan Africa, January 2001, at
http://www.who.int/medicines/publications/WHO_QAMSA_report.pdf accessed 08/8/11 19
Source Plan stratégique national 201115 http://www.pnlp.sn/administration/Upload/documents/1306327775.pdf
accessed 3/11/11 20
Source PMI MOP accessed 10/11/11 at http://pmi.gov/countries/mops/fy11/senegal_mop-fy11.pdf 21
Michael Ramharter et al, The use of paediatric artemisinin combinations in sub-Saharan Africa:, Malaria Journal 2011,
10:365 accessed on 12/2/12 at http://www.malariajournal.com/content/pdf/1475-2875-10-365.pdf 22
IMS Health website:
http://www.imshealth.com/portal/site/ims/menuitem.ec35b98806417dab41d84b903208c22a/?vgnextoid=913bc9e28f44f
210VgnVCM10000071812ca2RCRD&vgnextfmt=default 23
Source: Consolidated IMS Health data for Benin, Burkina Faso, Cameroon, Congo, Ivory Coast, Gabon, Guinea, Mali,
Senegal, Togo in 2010. 24
List of WHO prequalified products Those only include ACTs by API and manufacturer accessed on 12/2/12 at
http://apps.who.int/prequal/
8
It is not possible to specifically identify treatments
sold for children, as many people crush adult tablets
for paediatric use. However, according to Roll Back
Malaria (RBM), forecast demand by age/weight
bands indicates that paediatric forms should
constitute approximately 60% of the demand, with
70% for AL and 25% for ASAQ25
. Moreover, the IMS
data above includes SP used as preventive
treatment for pregnant women. ACTs represent
76% of the sales registered by wholesalers in 2010
(formal private sector); AL and ASAQ, the two ACTs
on national policies in francophone Africa,
constitute 57% of these sales. AQ monotherapy has
a 3% share, with high variability between countries; it is especially high in Mali with 199,000 units for
a 1,390,000 unit market (14% MS), and Benin, with 58,000 units for a 1,239,000 unit market (nearly
5% MS). WHO prequalified products total approximately 22% of these products sold in the
regulated private sector.
Syrup and suspensions, none of them WHO prequalified, are largely used in francophone Africa,
with predominance of the following:
1. Coartesiane®, Dafra’s AL suspension, with 478,000 units or 4% of the total market, including
adult and paediatric antimalarials. It is the lead liquid-based product, with main markets in
Ivory Coast, Cameroon and Mali,
2. Camoquin Plus®, Pfizer’s AS solid form + AQ suspension, with 452,000 units or 4% MS, with
its main market in Ivory Coast,
3. Bimalaril®, Medical Pharma’s AL suspension, with 381,000 units or 3% MS, with main
market in Ivory Coast,
4. Camoquin®, Pfizer’s AQ syrup, with 299,000 units or 2.5% MS, with main markets in Mali
and Benin.
Although solid paediatric formulations are rapidly being adopted according to interviewees, syrups
and suspensions are still a favoured formulation for children.
25
Source RBM-WHO ROUND TABLE ON ACT SUPPLY, 2011, accessed on 15/2/12 at
http://www.rollbackmalaria.org/partnership/wg/wg_procurementsupply/docs/RBM-WHO-Round-Table-on-ACT-Supply.pdf
Frequently used antimalarials in francophone Africa
9
III. KEY BARRIERS TO THE USE OF RECOMMENDED QUALITY-ASSURED SOLID PAEDIATRIC
ACTS & LEVERS OF CHANGE
The following seven barriers have been assessed:
A. Policy – National Essential Medicines List: from evidence to policy
The policy/National Essential Medicines List (NEML) constitutes a low barrier to access to
recommended quality-assured solid paediatric ACTs for noncomplicated malaria.
Malaria policies are in place, linked to NEML and standard treatment guidelines (STG). These
policies also stipulate free or subsidized ACTs for all patients or for children under 5.
However, the paediatric dosages of ASAQ FDC are not indicated on the NEML and/or the local
malaria protocol in 3 out of 6 countries, and in 2 of them, reference is made to the loose ASAQ
combination and not the FDC. AL liquid formulations are on the NEML or the local malaria protocol
for use in the public sector in 3 and eventually in 4 countries, whereas the solid paediatric AL
formulation is only referenced in 2 countries.
In addition, there are often discrepancies between the NEML and the local malaria protocol.
Rational use of paediatric antimalarials may be improved with a broader dissemination of both the
updated NEML and the local malaria protocol. Moreover, while AS monotherapies are banned in
these countries, AQ and SP monotherapies may still be used for the treatment of noncomplicated
P. falciparum malaria.
10
The following table summarizes the policy, NEML and national protocol with regards to ACTs:
Benin Burkina
Faso
Cameroon Gabon Mali Senegal
1st
line malaria national policy AL ASAQ-
AL26
ASAQ ASAQ AL27
AL-ASAQ
Free/subsidized 1st
line ACT
(date of origin)
Free <528
(05/11)
Subsidiz-
ed (2005)
Free <5
(02/11)
Free for
all (2003)
Free <5
Free for
all (05/10)
Diagnostic confirmation policy
Diagnostic free of charge?
For all
NO
For all
NO
For >5yo
Free<5
For >5yo
No
For all
YES
For all
YES
ASAQ: all FDC dosage forms on
the NEML
YES YES YES NO NO NO
Liquid AL formulation on
NEML/local protocol
NO NO YES NO but
AS-L29
YES NO (yes
2012?)
Dispersible AL on NEML NO YES NO NO YES NO
A1. Standard treatment guidelines
ASAQ is the first-line treatment for noncomplicated malaria in Cameroon and Gabon, while AL is the
first line in Benin and Mali, and both are first line in Burkina Faso and Senegal. In countries where
ASAQ is first line, AL is indicated as second line; and vice versa in the other countries. This treatment
is free of charge for children under 5 or for all, excepted in Burkina Faso where patients need to co-
pay a small fee. This is theoretically in effect in the public sector as well as the faith-based
organizations integrated into the public sector. However, implementation of the free policy
sometimes proves difficult, particularly in Cameroon and Benin. Diagnostic confirmation is
theoretically required for all patients in Benin, Burkina Faso, Mali, and Senegal or in patients over 5
years old in Cameroon and Gabon. Yet it is not always done – with a varying frequency between
countries – and the ACT may still be provided without diagnostic confirmation in all countries except
Senegal. The National Insurance Scheme, such as the CNAMGS “Caisse Nationale d’Assurance
Maladie et de Garantie Sociale” in Gabon, or RAMU in Benin may be a good lever to rationalize ACT
and rapid diagnostic test (RDT) use; the CNAMGS Director expressed his desire to promote RDT use,
provided adequate stocks of RDTs are available. AS monotherapy is banned in all six countries;
however, other monotherapies such as AQ or SP for therapeutic use are not.
A2. National Essential Medicines List and local national malaria protocol
The NEML is defined by a consultative or permanent commission, and in principle is revised every 2–
3 years. It is the reference for the central pharmacy procurement, and the basis for the elaboration
of national treatment protocols. Revised NEMLs can reinforce the WHO’s preference for FDC versus
loose combination ACTs, and can also reinforce relevant paediatric dosage forms consistent with the
national malaria policy treatments. While the NEML was updated in 2011 in Burkina Faso to include
both ASAQ FDC in all dosage forms and dispersible AL, the NEMLs in other countries still need to be
updated in order to support broader use of child-friendly quality medicines:
26
Only ASAQ is subsidized 27
Interviewees indicated a switch from ASAQ to AL in 2011 28
Free for children under 5 29
Artesunate lumefantrine instead of artemether lumefantrine
11
Country Situation Comments
Benin AL: Only adult tablets are available in the
public sector.
Adult tablets are crushed for use in children.
The AL solid paediatric formulation is not
mentioned in the NEML nor in the local
protocol.
Burkina
Faso AL: Although AL dispersible appears on
the NEML, it is not on the national protocol
where only adult tablets are mentioned.
There is a lack of consistency between both
documents.
Came-
roon
ASAQ: All ASAQ FDC 4 dosage forms are on the
NEML. The loose combination is mentioned in
addition to the FDC with a mention “clear
preference for the FDC when it is available”.
AL: Liquid formulation of AL is indicated in
the NEML and the national protocol – with a
warning about a 1-week stability once
reconstituted; no solid paediatric formulation is
mentioned. Various AL tablets are on the
central pharmacy procurement list for adults
and an AL suspension is procured for children,
the latter with government funding.
AL liquid formulation on the NEML is a
significant barrier to quality-assured childrens’
treatment as no liquid formulation is
prequalified by the WHO. No quality-assured
solid paediatric AL formulation is procured by
the central pharmacy as it is not on the NEML,
and the NMCP is waiting for a WHO
recommendation to act.
Gabon
ASAQ: Only the dosage “AS 50 mg + AQ
153 mg” is on the NEML. ASAQ is 1st
line policy
treatment, and the central pharmacy updated
its procurement list to get ASAQ FDC in all 4
dosage forms.
This dosage refers to the co-blistered and not
the FDC, and moreover, no paediatric dosage is
indicated. Yet, the WHO recommends FDCs as
“highly preferable to the loose individual
medicines co-blistered or co-dispensed”30
. A
ministerial decree allows the central pharmacy
to procure ASAQ FDC.
AL: AS-L tablets are on the NEML instead
of AL; it is not WHO prequalified. Only adult AL
tablets are on the national protocol.
The central pharmacy updated its procurement
list to be able to get AL tablets and suspension
for children. There is a lack of consistency
between the two documents.
Mali ASAQ: Only the dosage 100/270 mg is
indicated, i.e. the adult dosage form of the
FDC; paediatric dosages are not mentioned.
However, ASAQ paediatric dosages are
mentioned on the national protocol, and
procured by the central pharmacy as needed.
AL: Liquid formulation of AL is on the
NEML and the national protocol, no solid
paediatric formulation.
Senegal ASAQ: Only the dosage “AS 50 mg + AQ
153 mg” is on the NEML. The reference product
mentioned in Senegal is Falcimon®, a Cipla
AS+AQ kit.
This dosage refers to the loose and not the FDC,
and moreover, no paediatric dosage is
indicated. However, a ministerial decree allows
the central pharmacy to procure ASAQ FDC.
AL: Only adult tablets are on the NEML. A ministerial decree allows the central
pharmacy to distribute AL dispersible; however
the NMCP indicated being ready to add AL
suspension to the NEML.
National malaria protocols exist in each country and in general, are clear and specific; yet several
need to be updated for consistency with the NEML. Moreover, both policy documents would
benefit from further and broader dissemination. For instance in Gabon, the pharmacists association,
the distributors and the national insurance organization indicated that they did not have the NEML
30
WHO guidelines for the treatment of malaria, accessed 12/1/12 at
http://whqlibdoc.who.int/publications/2010/9789241547925_eng.pdf
12
nor the local malaria protocol, which constitutes a barrier to the rational use of antimalarials. Less
than 25% of the structures managing patients had the local protocol in Cameroon in 200831,32
and
only 13.5% of the facilities had latest version of the NEML in Senegal in 200933
.
A3. Levers of change for consideration
1. UPDATE OF THE NEML AND/OR NATIONAL PROTOCOL VIA A CONSENSUS TECHNICAL WORKSHOP
With the NMCP, National Medicines Regulatory Agency (NMRA), WHO and other stakeholders,
to provide the existing evidence to the Ministry of Health (MOH) in order to update NEMLs and:
- Include relevant solid FDCs with all paediatric dosage forms,
- Include all quality-assured products as references in order to increase their visibility,
- Provide sufficient specifications to allow for safe procurement,
- Remove nonquality-assured products such as liquid paediatric formulations,
- Ensure entire consistency between the NEML and the STG.
This work will be based upon scientific evidence and the latest WHO model formulary for
children.
2. BROAD DISSEMINATION OF NEML AND LOCAL PROTOCOL
This dissemination should target health professionals (HPs) in public and private sectors, via
professional associations, with the support of NMCP focal points. This dissemination may
require a consensus meeting for professional associations support. Distributors should be
incentivized to disseminate these documents to private sector pharmacists.
3. POSSIBLE ROLE(S) FOR MMV
- Bundle relevant scientific information that clearly shows advantages of quality-assured
paediatric formulations. Leverage ongoing phase IV effectiveness studies (e.g.
INDEPTH/INESS) in order to draw out paediatric-specific evidence,
- Facilitate the dissemination of that scientific information at national, regional and
international levels, in close partnership with RBM and WHO headquarters and African
regional office,
- Facilitate the set up or strengthening of a national case management working group
focusing on children’s treatment, under the leadership of the MOH and with WHO and
UNICEF support,
- Participate in national workshops to update the NEML and national protocols, under the
leadership of the NMCP, with WHO (EML) and champions identified in each country.
31
CARTOGRAPHIE ET EVALUATION APPROFONDIE DES SYSTEMES D’APPROVISIONNEMENT ET DE
DISTRIBUTION DES MEDICAMENTS ET AUTRES PRODUITS DE SANTE AU CAMEROUN, 2008, accessed 2/10/11 at
http://apps.who.int/medicinedocs/documents/s17824fr/s17824fr.pdf 32
Source ANALYSE SITUATIONNELLE MISE EN ŒUVRE POLITIQUE PHARMACEUTIQUE NATIONALE 1e GENERATION, Sept
2008, accessed 2/10/11 at http://www.who.int/medicines/areas/coordination/cameroonevaluation08.pdf 33
Source CARTOGRAPHIE ET EVALUATION APPROFONDIE DES SYSTEMES D’APPROVISIONNEMENT ET DE DISTRIBUTION DES
MEDICAMENTS ESSENTIELS ET AUTRES PRODUITS DE SANTE AU SENEGAL, 08/2009, accessed 10/11/11 at
http://apps.who.int/medicinedocs/documents/s17561fr/s17561fr.pdf
13
B. Regulatory: from policies to regulations
Regulatory aspects may constitute a barrier to access to recommended quality-assured solid
paediatric ACTs for noncomplicated malaria.
Even where national pharmaceutical policies exist, and recommended quality-assured solid
paediatric ACTs have a marketing authorization, the private sector is complex with many
antimalarials registered, from multiple manufacturers, often not in line with the national malaria
policy and with varying quality. For instance, in many of the countries, private pharmacies are
authorized to market the following legally registered products: AQ and SP monotherapies for the
treatment of noncomplicated P. falciparum malaria, 2-day ACT treatments, and multiple syrups
and suspensions to treat children’s malaria. Several generics of AL dispersible are now available,
but none are quality assured and there is not adequate information on the stability of these
formulations. Separately, nonauthorized drugs of poor quality are sold by street vendors in the
sizeable informal private market.
B1. Appropriate regulatory standards
A national pharmaceutical policy exists in each of the six countries, with a NMRA responsible for
the elaboration, implementation and control of the pharmaceutical directives, health products
approval, coordination of pharmaceutical supply, quality assurance and (in some countries)
pharmacovigilance (PV)34
. A 2010 WHO assessment of NMRA in 26 sub-Saharan African countries,
although not specifically assessing any specific country NMRA, concluded that regulatory structures
for medicines do exist and the main regulatory functions are addressed; however, “on the whole,
countries did not have the capacity to control the quality, safety and efficacy of the medicines
circulating” 35
.
A marketing authorization is required for every product. Manufacturers must submit in each
country, and in most cases, countries have slightly different requirements. This is a bottleneck for
manufacturers and is also costly as they must prepare multiple technical dossiers and submit to
multiple plant inspections; however, there are an increasing number of harmonization initiatives to
reduce this bottleneck by arranging joint reviews among stringent regulatory authorities and NMRAs
from developing countries. These initiatives accelerate registrations for eligible medicines while
improving regulatory capability36
.
B2. Relevant products licensed
Quality-assured solid paediatric ACT formulations consistent with the national malaria policy have
a marketing authorization in all six countries:
- ASAQ: Sanofi-Aventis’ Coarsucam® in 4 dosage forms, or ASAQ Winthrop in its generic
packaging, including 3 paediatric ones,
- AL: Novartis’ Coartem®-Dispersible.
34
For additional information, please refer to the WHO «évaluation approfondie des systèmes d’approvisionnement et de
distribution des médicaments et autres produits de santé» for several of these countries 35
Assessment of medicines regulatory systems in sub Saharan African countries”, WHO, 2010 accessed on 25/11/11 at
http://www.who.int/healthsystems/Assessment26African_countries.pdf 36
WHO PQ assessment training accessed on 12/2/12 at
http://apps.who.int/prequal/info_press/pq_news_28September2011_AssessmentTraining.htm
14
In addition, dispersible AL generics from Ajanta Artefan® Dispersible, EGR Pharma Cofantrine®
Dispersible and Imex Health Lufanter® Dispersible have recently been granted a marketing
authorization in some or all of those countries, yet none is WHO prequalified at this time. Mepha’s
paediatric formulation of ASMQ, paediatric Artequin®, is also available in these countries, although
the formulation is not WHO prequalified. For DHA-PQP, Salvat’s Malacur®, Holley Cotec’s
Duocotecxin®, and Odyfarm’s Artecom® are available as adult and liquid paediatric formulations, and
Artecom Dispersible® is available in some countries; none of these are prequalified. In addition,
several FDCs of ASAQ have a marketing authorization in some countries.
In addition to these ACTs, the formal private sector is complex with many antimalarials registered,
from multiple manufacturers, often not in line with the national malaria policy. Over 150
antimalarials were registered in 2008 in Burkina Faso, Mali and Senegal, and over 90 in Benin and
Cameroon. While AS monotherapies have been banned, paediatric suspension of AQ
monotherapy is a favourite antimalarial in the formal private sector in Mali and Benin. Fighting
monotherapy use has been identified as a priority in some countries, given the threat of resistance
triggered by such treatments.
The 2010 WHO malaria guidelines state that “ACTs should be used” and “The continued use of
artemisinins or any of the partner medicines, such as monotherapies, can compromise the value of
ACTs by selecting for drug resistance”28
. All monotherapies are theoretically banned for therapeutic
use in Burkina Faso and Gabon; they are, however, still sold in Gabon. The market also includes
multiple syrup and suspension formulations for children, and 2-day ACT treatments, except in
Burkina Faso where less than 3-day ACT treatments are banned. In addition, many antimalarials
available on the market do not comply with international recommendations with regards to quality.
Moreover, illegal drugs of poor quality are sold by street vendors in all six countries, including
chloroquine and monotherapies.
B3. Levers of change
1. STRONGER ENFORCEMENT OF REGULATIONS & CONTROL MEASURES IN THE PRIVATE SECTOR
Enforcement of national regulatory authorizations must be addressed in the private sector to
ensure the use of antimalarials consistent with the national malaria policy and preferably
- in harmony with the WHO recommendations, i.e. WHO guidelines for malaria treatment
and the model list of essential medicines for children37
- and with prioritization of quality-assured products.
“Technical homologation” workshops are necessary under the NMRA leadership, and with the
NMCP, the WHO and key national malaria stakeholders.
2. RESTRICTION OF MONOTHERAPIES USE TO THEIR INDICATIONS, SO THEY ARE NO LONGER USED FOR TREATMENT
OF P. FALCIPARUM NONCOMPLICATED MALARIA; STRONG ENFORCEMENT, ALONG WITH PHASING IN RELEVANT
PRODUCTS (SEE BELOW)
Nationally, these measures should be considered:
o A consensus workshop where existing evidence is presented, under the leadership of the
NMRA, with strong WHO support, and with all actors,
37
Accessed on 12/2/12 at http://whqlibdoc.who.int/hq/2011/a95054_eng.pdf
15
o Recommendations communicated to the MOH for decree (or law),
o Increased MOH pressure against all monotherapies used for treatment of P. falciparum
noncomplicated malaria,
o Sensitization of prescribers, pharmacists, distributors and communities in parallel.
Regionally – Internationally, these options could be considered:
o WHO clarification,
o ALMA and UEMOA may be engaged along with WHO,
o Manufacturers, particularly large multinational corporations, should stop production of all
monotherapies for treatment of noncomplicated P. falciparum malaria, including AQ syrups
(e.g. Camoquin and Camoquin Plus by Pfizer).
3. PRIORITIZATION OF QUALITY-ASSURED PRODUCTS
In the private sector, few are aware of the varying quality of the treatments. A visible logo
could be considered to indicate the international quality-assured status (i.e. eligibility for
procurement by the GFATM, thus potentially becoming a strong positive driver for
prioritization of quality-assured products in the market, hence providing a commercial
advantage). This is a similar concept as used by the AMFm (the Green Leaf), although
with a larger application as it is not solely for GFATM-procured products but for all
quality-assured products.
4. ENGAGEMENT OF NATIONAL AND OTHER HEALTH INSURANCES: KEY INFLUENCERS OF THE RATIONAL USE OF
ANTIMALARIALS AND RDTS IN THE PRIVATE SECTOR VIA THEIR REIMBURSEMENT POLICY
For countries where national insurance schemes are gaining momentum, approved
formularies could help reinforce the prioritization of quality-assured paediatric
medicines. Close collaboration and ongoing communication with institutions such as the
CNAMGS in Gabon or RAMU in Benin on national and international paediatric treatment
policies is important.
5. COMMUNITY SENSITIZATION AGAINST SELF-MEDICATION (SEE G BELOW)
6. HOW MMV MAY FACILITATE RATIONAL USE OF RECOMMENDED QUALITY-ASSURED SOLID PAEDIATRIC ACTS
o Bundle relevant scientific information to facilitate regulatory market rationalization,
including evidence/rationale to restrict the use of non-AS monotherapies to their
indications, reinforcing WHO directives,
o Participate in national workshops, i.e. EML and/or procurement workshops, to rationalize
antimalarials in the private sector and restrict the use of non-AS monotherapies and non-3-
day ACT therapy, under the leadership of the NMRA, with NMCP, WHO, key stakeholders
and champions identified in each country, including national insurance representatives,
o Pursue exploratory discussions regarding the possibility of product labelling or tagging that
distinguishes their international quality status, particularly for products in the private
market,
o Facilitate the engagement of manufacturers to seek WHO prequalification and to stop
production of all monotherapies for treatment of noncomplicated P. falciparum malaria.
C. Manufacturing & supply: consistent quality supply
The lack of adequate and constant supplies can constitute a barrier to access to recommended
quality-assured solid paediatric treatments for noncomplicated malaria.
In most countries, procurement and distribution systems are in place; however, stockouts of ACTs
and RDTs in the public health centres are a key barrier to access, due to a combination of structural
Driver of
change
Driver of
change
16
and financial issues. ASAQ procured in the public sector is most often in the form of paediatric FDC
quality-assured dosages. AL is often used in the public sector in the form of crushed adult tablets
(often procured with GFATM funding) or suspension (procured with government funding), whereas
United States President’s Malaria Initiative (PMI) procures dispersible tablets. In the private
sector, many treatments are procured, not necessarily following the recommendations and of
varying quality. Dispersible AL paediatric formulations, although recent, are achieving acceptance
in countries where they are commercialized, and often are sold more frequently than the same
product in a liquid formulation. Faith-based organizations often procure their own drugs outside
of the central pharmacy and/or receive donations that are not necessarily consistent with the
national policy.
Novartis’ Coartem®-Dispersible is the only WHO-prequalified AL paediatric formulation, and it
suffered from inconsistent availability in the last half of 2011. Sanofi-Aventis was the only ASAQ
FDC manufacturer prequalified for public sector tenders, which constituted a supply risk; however,
IPCA’s ASAQ FDC has been WHO prequalified after completion of that study. Moreover,
international demand for ACTs has been increasing significantly, in part thanks to AMFm orders –
but looking towards 20122013, it has been difficult for manufacturers to get reliable demand
forecasts, given (in part) uncertainties about the continuation of the AMFm. As such, many
manufacturers don’t want to invest in additional expansion of capacity based on forecasts that
may not be reliable.
C1. Procurement and supply chain functionality
Procurement and distribution systems of varying reliability are in place in the public, faith-based
and private sectors. In general, government central pharmacies are responsible for procurement,
storage and distribution of essential medicines, primarily generics, to the population at lowest
costs. These central pharmacies often supply the public sector, as well as those faith-based
organizations integrated into the public health system. Moreover, they may also supply the private
sector in some cases, such as:
o In Burkina Faso, the CAMEG supplies generics to the private sector, including subsidized ACTs
in private pharmacies – although they are difficult to find. Similarly, in Cameroon, the
CENAME is supposed to provide ASAQ to the private pharmacies, although in practice this is
not happening very reliably.
o In Senegal and Benin, the central pharmacy distributes essential medicines to private
pharmacies, but this does not include antimalarials at this time.
o In Gabon, the OPN does not distribute generics to the private sector.
The central pharmacy theoretically procures antimalarials based upon the NEML, although the
NEML needs to be updated and thus is not the basis for procurement in some countries. For
instance, ASAQ is the first-line ACT in Gabon where the co-blister AS+AQ figures on the NEML, but
ASAQ FDC is procured. In Senegal, although the NEML is not updated, AL has a special authorization
to be on the PNA procurement list.
17
In the public sector, the following ACTs are procured by central pharmacies38
:
National policy ASAQ 1st
line treatment AL 1st
line treatment
ASAQ procured
ASAQ FDC Burkina Faso, Cameroon, Gabon Benin, Mali, and Senegal as 2nd
line
ACT
Suspension Burkina Faso (CAMEG funding for
private sector use)
AL procured
Dispersible Possibly Burkina Faso in 2012
(CAMEG own funding)
Mali & Senegal (PMI–CIDA funding)
Possibly Benin 2012 (PMI funding)
Nondispersible for
children’s use
Benin (GFATM funding)
Suspension Cameroon, Gabon (gov. funding) Senegal (government funding, 2009)
Stockouts of ACTs and RDTs in the public health centres are a key barrier to access to
recommended quality-assured solid paediatric ACTs. Several countries acknowledged that in
addition to structural and financial issues, there is insufficient coordination between the NMCP, the
central pharmacy, partners and donors, leading to inefficiencies and stockouts. In response, several
countries have set up coordination mechanisms to strengthen ACT demand forecast and supply:
Burkina Faso and Senegal have set up coordination commissions, and Benin has a case management
working group under the NMCP leadership that addresses some of these concerns.
In addition, global demand for the few quality-assured paediatric ACTs is increasing significantly,
and it is difficult to obtain reliable demand forecasts, in large part because of a lack of reliable data
in-country regarding consolidated public and private sector demand. That constitutes a key barrier
as manufacturers don’t want to invest in additional capacity on the basis of forecasts that may not
be sufficiently reliable.
In the public sector, there are often distribution issues leading to frequent stockout beyond
regional pharmaceutical depots. These are related to a combination of financial and structural
issues, including inaccuracy of demand forecasts, nonoptimal procurement, stock management
and distribution planning. The central pharmacy generally distributes down to the regional level -
with the exception of Mali where it is compulsory for the central pharmacy to go down to the district
level, and Gabon where the process is different from other countries. The peripheral health centres
then come to get supply at the regional or district level. As there are often underlying financial
constraints, stockouts often lead to the sales of nonrecommended medicines in order to generate
revenues.
In some countries, larger faith-based organizations are integrated into the public system, and
access the same essential medicines as the public sector, via the central pharmacy, although these
faith-based organizations often experience more stockouts than the public sector; this was the case
in Benin, Burkina Faso, Cameroon and Senegal. In other countries like Gabon, faith-based
38
Source interviewees and GFATM http://www.theglobalfund.org/en/procurement/pqr/ accessed on 09/02/12
18
organizations are not able to access essential drugs via the central pharmacy. Faith-based
organizations often procure drugs via IDA, Medeor, or Pharmapro; these organizations also receive
donations that are not necessarily consistent with the malaria policy, and they may have insufficient
knowledge of national policy. The WHO has developed guidelines to assist with donations and to
support increased quality39
. Information and sensitization of their procurement departments may be
an important tool for improved rational use of antimalarials.
In the formal private sector, the following solid paediatric ACT are available in some or all of the
countries:
AL Status
Artefan® Disp, Ajanta Recently registered, not available during the survey
Coartem®-Disp, Novartis Referenced, but not available from the manufacturer during
the survey
Cofantrine® Disp, EGR Pharma Recently commercialized in some countries
Lonart® Disp, GVS Lab Not available in francophone Africa during the survey
Lufanter® Disp, Imex Health Recently commercialized in some countries
ASAQ
Coarsucam®, Sanofi-Aventis Available in all six countries + as ASAQ Winthrop in Burkina
Faso
ASMQ
Artequin® pediatrique, Mepha Available in all six countries
Only two of these solid paediatric ACTs are WHO prequalified (green highlight): Sanofi-Aventis’
ASAQ FDC and Novartis’ Coartem®-Dispersible. Sanofi-Aventis was the only ASAQ FDC
manufacturer prequalified for public sector tenders, which represented a supply risk given the large
demand for the product – IPCA’s ASAQ FDC has been WHO prequalified after the completion of that
study. Sanofi-Aventis is currently developing plans to have two manufacturing sites in order to
ensure diversified production capability; in addition, DNDi is facilitating the development of another
quality-assured ASAQ FDC production site. Similarly, although there are WHO prequalified generics
of AL, Novartis’ Coartem®-Dispersible is the only prequalified paediatric formulation and it was not
available from the manufacturer over the past several months. The arrival of AL dispersible generics
is recent, and none is WHO prequalified. It is interesting to note that Ajanta’s Artefan®, Imex
Health’s Lufanter® and EGR Pharma’s Cofantrine® also exist in a liquid formulation, by the same
manufacturer and paediatric AL dispersible generics, although recent, have been rapidly adopted
and are now sold more than the same product in liquid formulations. For instance, in Benin,
dispersible from the Imex group (Cofantrine® and Lufanter®) is sold ten times more than the liquid
formulations of these products, and over 2 to 3 times more in Gabon.
In addition, as noted above, many antimalarials are sold in the private sector to be used by
children, that are not aligned with national malaria policy nor WHO guidance, such as AQ or SP
monotherapies and ACTs of less than 3-day treatment duration.
39
WHO 2010 revised guideline for medicines donation accessed 12/2/12 at
http://whqlibdoc.who.int/publications/2011/9789241501989_eng.pdf
19
In the private sector, there are a handful of main distributors who import and supply medicines to
the registered pharmacies. The supply chain is functional, but normally only in larger cities.
C2. Products available at health facility level
In the public sector, all interviewees referred to the unreliable availability of ACTs and RDTs as the
primary barrier to access to treatment. As documented widely in many other studies in Africa,
stockouts of ACTs and RDT are indeed a crippling problem in the public sector, leading patients to
procure alternative treatments in the public health centre or in the private sector. When there is
no ACT in the required dosage form, a prescriber in the public sector may charge to inject quinine or
write a prescription for the patient to purchase an ACT treatment at a nearby pharmacy at a high
cost. In the 2010 Gabon NMCP evaluation, 10 out of 25 primary health centres experienced ACT
stockouts from 3 to 16 months during the last 5 years11
; in addition, RDTs are not available
anywhere. In Benin40
, Burkina41
, Cameroon29
and Mali42
, the availability of ACTs in the public sector
was estimated at around 70-75%. In Senegal, there were significant and repeated stockout in some
centres and overstocking in others in the recent past; this is attributable in part to a new
procurement code and in part to a strike of health centres personnel.
Private sector retailers rarely cited stockout concerns, as lead times are short and products can be
sourced from multiple wholesalers – with the exception of Coartem® Dispersible in the second half of
2011. Pharmacists stock products based upon demand, influenced by prescribers’ and pharmacists’
habits, as well as by guidance from pharmaceutical representatives and consumer preferences –
which are not always aligned with quality-assured products. Distributors and pharmacists generally
welcome solid ACT formulations, as they are easier to stock and transport.
C3. Levers of change
1. STRENGTHENING OF THE SUPPLY CHAIN: THE LEADING REQUEST FROM ALL 6 COUNTRIES
Extensive training is planned by partners, with focus on capacity building, monitoring of use
and planning for timely supply despite a long procurement process.
2. AVAILABILITY AND USE OF RDT
In addition to structural and financial supply issues, demand for ACTs is increased as RDTs
are not sufficiently used, hence availability and use of RDTs may be a key lever of change.
PMI is supporting some activities aiming to increase RDT use in the three countries they
support: Benin, Mali and Senegal.
3. BOLSTERING ACT COORDINATION
Mechanisms should be encouraged and best practices emulated to facilitate communication
and coordination among stakeholders involved in ACT policy, supply and financing.
40
PMI MOP FY2012 accessed 23/1/12 at http://www.pmi.gov/countries/mops/fy12/benin_mop_fy12.pdf 41
Source Swiss TPH 42
Analyse de la situation de base de l’approvisionnement en médicaments antipaludiques et TDR au Mali, Emmanuel Nfor
et al, 2009, USAIS, SPS, PPM
20
Necessary players include the NMCP, NMRA, central pharmacies, donors, professional
associations and experts. There are some leading examples from countries such as Kenya
that can be studied.
4. RELIABLE DEMAND FORECASTS SHOULD BE ENCOURAGED
These will help facilitate production planning and alignment of donor funding of realistic
demand, which requires, among other elements, proper monitoring of past consumption.
5. QUALITY-ASSURED PAEDIATRIC ASAQ AND AL GENERICS
A second ASAQ FDC manufacturing site, and additional paediatric AL generics, both WHO
prequalified, are critical. For ASAQ FDC, if Sanofi-Aventis successfully manages two active
sites from late 2012 onwards, this will be helpful, alongside DNDi’s efforts to facilitate the
development of a new ASAQ manufacturing site – it is to note however that IPCA’s ASAQ
FDC has recently been prequalified by WHO, after the completion of that study.
6. ENGAGEMENT OF THE PRIVATE SECTOR DISTRIBUTORS AND PHARMACISTS TO INCREASE COVERAGE WITH
RECOMMENDED QUALITY-ASSURED PAEDIATRIC ACTS
This could help displace poor quality medicines sold in the informal sector:
o Nationally: the engagement of the private sector is key and is a component of the Senegal
and Benin malaria strategic plans,
o Internationally: distributors, wholesalers i.e. Laborex, Mission Pharma, Ubipharm, Planete
Pharma, IDA, and central procurement departments (or those of faith-based organizations)
have a strong logistical and financial incentive to favour solid formulations, and could
become important drivers for such formulations. Their sensitization to quality-assured
solid ACTs may improve ACT rational use.
7. HOW MMV MAY HELP ADDRESS SUPPLY CHAIN ISSUES TO INCREASE ACCESS TO QUALITY PAEDIATRIC ACTS
o Document and disseminate MMV’s current stock management pilot initiatives in E. Africa,
o Encourage national ACT coordination mechanisms,
o Encourage manufacturing partners to work with accurate forecasts to meet demand for
paediatric ACTs,
o Through partners, seek engagement with private sector distributors and sellers to facilitate
their sensitization. This can include international initiatives targeting distributors,
wholesalers and faith-based organization procurement departments. The objective is to
encourage them to embrace the use of quality-assured paediatric formulations.
D. Financing: quality-assured paediatric ACTs affordable for all involved
Financing flows within countries constitute a barrier to quality-assured solid paediatric treatments
for noncomplicated malaria.
ACTs are theoretically free or subsidized with a small patient co-payment in the public sector, yet
financing free products represents a significant challenge for the health centre and/or the central
pharmacy, often leading to stockouts. This in turn requires patients to procure medicines
elsewhere at a higher cost.
Driver of
change
21
In the private sector, antimalarials run from 5 francs CFA (franc de la Communauté Financière
Africaine – 1€ = 656 FCFA) in the “informal” market to up to 6,000 CFA. Liquid paediatric
formulations as well as DHA-PQP and AS+MQ regardless of their formulation are generally the
most expensive antimalarials used for children. Encouragingly, relatively new dispersible AL
formulations are up to 4 times less expensive than the same product in liquid formulation, given
their lower costs of manufacture, transport and storage – this may be a strong driver of future
uptake.
D1. Pricing system
In the public and integrated faith-based sectors, ACTs are free for children under 5 and may be free
for all, with the exception of Burkina Faso where they are subsidized with a small patient co-
payment. Treatment prices are supposed to be posted in public health centres, but rarely are. The
free medical consultation and free ASAQ for children under 5 in Cameroon is theoretically available in
the private sector; however, the reimbursement modalities are not clear and the private sector most
often does not adhere to this policy.
In the private sector, medicines prices are set and the retail price of antimalarials runs from 5 CFA
in the informal private market to up to nearly 6,000 CFA in private pharmacies. Liquid
formulations are generally the most expensive, along with DHA-PQP and AS+MQ regardless of
their formulation (see the most expensive products highlighted in red in the table below). The solid
formulation of a given product is priced 2.5 to 4 times less than its liquid formulation. Examples of
private sector prices are indicated in the table below. Wholesalers’ prices (PGHT) are listed in € in
2010 per IMS Health; public prices (PP) in CFA were reported by distributors during interviews in
2011-201243
(656 CFA = 1 Euro).
AL Products Liquid formulation
PGHT in € [PP in CFA]
Solid formulation
PGHT in € [PP in
CFA]
Suspension – 60
ml
Coartesiane® Dafra 3.24–3.43 [4,085-4,500]
Lufanter® Imex Health 2.95–3.00 [≅3,800]
Cofantrine® EGR Pharma 2.84–3.15 [≅3,400]
Artefan® Ajanta 1.96–3.33 [≅2,450]
Lonart® GVS Lab 2.75–2.84
Non-Disp. 6 tab.
20/120
Various manufacturers 0.50–2.28
Coartem® Novartis 0.97
Disp. tablets Coartem® Novartis (pack of 36) [1,150–1,300]
Artefan® Disp Ajanta [1,000]
Lufanter® Disp Imex Health [940]
Cofantrine® Disp – EGR Pharma [950-1,000]
ASAQ
FDC Coarsucam® Sanofi-Aventis
25/67.5 1.62–1.93
50/135 1.78–2.12
43
1€ = 656 CFA on 09/02/11
22
AL Products Liquid formulation
PGHT in € [PP in CFA]
Solid formulation
PGHT in € [PP in
CFA]
100/270 – 3 tablets 2.02–2.38
100/270 – 6 tablets 2.83–3.33
Susp. – 60 ml Camoquin Plus® Pfizer 2.30 [1,9002,850]
DHA-PQ
Tablets Artecom® Odypharm44
(+trim) 3.50
Duocotecxin® Beijing Cotec45
4.00
Susp. – 60 ml Malacur® Salvat 3.00 [3,4803,750]
ASMQ
Granules Artequin® pediatrique 3.00 [3,400-4,100]
AQ
Suspension Camoquin® Pfizer 1.53 [1,900]
Pharmacists have a substitution right in most countries in order to provide patients with a cheaper
generic, but this is rarely done. In all these countries, many crush adult tablets for children in order
to get the lowest priced ACT.
D2. Affordable to payer
As noted, while in theory in the public sector, ACTs are free for children under 5 (except small co-
pay in Burkina Faso), in reality, the following barriers impede access to quality-assured affordable
paediatric ACTs:
o Barrier to the patient: ACTs that are theoretically free/subsidized are not always available,
thus patients have to procure a treatment at a cost either in the health centre or at a nearby
pharmacy. Financing thus remains a barrier to access for many. Moreover, in most countries
patients have to pay for other medicines and/or consultative services. Senegal attempts to
ensure that treatment made available through home-based management (HBM) is free and
Senegalese laws seek to protect free care and treatment for patients who can prove inability
to pay. Overall, cost of care represents a significant barrier for many in those countries, with
patients financing between 19% of their care in Senegal46,47
to 37% in Burkina48
and up to
60% in Cameroon in 200729
. While national insurance schemes are starting to be developed
in some countries, such as the CNAMGS in Gabon, coverage levels vary: 60% in Gabon, 20%
of Senegal, and 5% of Mali. There are plans to develop and strengthen such insurance health
schemes in Benin and Cameroon49
.
44
8 tablets - adult 45
8 tablets - adult 46
Source Rapid assessment of private sector_USAID_March 2009 accessed 10/11/11
http://www.shopsproject.org/sites/default/files/resources/5272_file_FINAL_Senegal_Assessment_rev.pdf 47
Source Plan stratégique national 201115 http://www.pnlp.sn/administration/Upload/documents/1306327775.pdf
accessed 3/11/11 48
Source CARTOGRAPHIE DES SYSTEMES D’APPROVISIONNEMENT ET DE DISTRIBUTION DES MEDICAMENTS ET AUTRES
PRODUITS DE SANTE AU BURKINA FASO 2010, accessed on 25/11/11 at
http://apps.who.int/medicinedocs/documents/s18637fr/s18637fr.pdf 49
Source PLAN NATIONAL DE DEVELOPPEMENT SANITAIRE (PNDS) 20112015, Cameroun, accessed 14/2/12 at
dev.cdnss.dros-minsante-cameroun.org/download/file/fid/3464
23
o Barrier to the central pharmacies and health centres as they function on a cost recovery
system, because of a lack of margin on free products (with the exception of Gabon). When
a product is free, there is no margin to support its management and distribution, hence free
products are not a priority for the transporter, and the system is not sustainable. As
mentioned by an interviewee: “Free ACTs get picked up whenever there is some room left in
the car or on the bike.” For such free products, a planning phase allowing for specific funding
for transport and storage are critical. In Senegal, health centres are to receive a subsidy, but
interviewees indicated that health centres generally don’t get it, leading them to recover
those costs via a higher margin on other drugs. In Benin, health centres should be
reimbursed for dispensing ACTs, provided that they managed the case properly, but it is too
early to tell whether this system will function properly. Practically, care is not yet free for
children under 5. Countries may ask the GFATM for funding for transport, generally down to
the regional level, but these requests are often missing, and this funding is not available for
peripheral health centres. In Cameroon and Benin for instance, the free policy was suddenly
announced by the president of the country and implemented in 2011. Gabon is planning to
switch to a cost recovery system, abandoning an allocated budget system for transport.
o Barrier to the health centres because of a lack of margin on free consultations, as in
Cameroon for children under 5. They may try to recover their loss on free consultations via
a supplementary margin on adults’ clinic price.
D3. Levers of change
1. A CROSS-SUBSIDY MARGIN
Cross-subsidies on which stipulated margins are applied to other products could increase adherence
to the free ACT programme by allowing:
o Margin on the management and transport of the drugs, all the way to the periphery,
o Margin for the public health centres that run free clinics,
o A clear compensation scheme for faith-based and other private sector organizations
so that they can participate in the programme.
2. NATIONAL INSURANCE SCHEMES
These can decrease out of pocket costs on health care, with strong support from donors
including the World Bank (WB). In addition, national insurances could become a key
potential lever to improve rational use of antimalarials via their reimbursement policy,
including ACTs and RDTs.
3. HOW MMV MAY FACILITATE RATIONAL USE OF RECOMMENDED QUALITY-ASSURED SOLID PAEDIATRIC ACTS
o Continue to work with manufacturers to develop quality-assured paediatric generics
as a priority focus area.
E. Health professionals: from policy to practice
Lack of demand by professionals constitutes a barrier to access to recommended quality-assured
solid paediatric treatments for noncomplicated malaria.
24
Although public sector prescribers generally follow national policy, they may still prescribe a non-
first-line policy treatment if first-line ACTs are not available. In the private sector, HPs often don’t
follow therapeutic guidelines, for various reasons related to established practice patterns,
conflicting sources of information with a strong influence by commercial representatives, and in
some cases financial incentives. In addition, pharmacists and faith-based organizations may not
have adequate information to make strong recommendations for quality medicines. All providers,
including pharmacists, may benefit from further sensitization and information on the international
recommendations, national policy, use of RDT, quality assurance, quality-assured paediatric
treatments and the importance of dispensing advice and PV when the latter becomes in effect.
E1. Health professionals aware, trained and available
Most interviewees noted that in the public sector, HPs are informed and generally follow the policy
if ACTs are available, but RDTs are not yet widely used. In some instances, however, if ACTs are
not available, they may falsely document a severe malaria case in order to be able to prescribe
another available antimalarial – typically quinine – and patients often accept injected antimalarials
because of lingering (erroneous) perceptions of the superior efficacy of injected medicines.
Alternatively, if ACTs are not available, HPs may prescribe an ACT only available (at high cost) in
the private sector.
In the private sector, prescribers are expected to follow national policy, yet they may often
prescribe an alternative, and syrups and suspensions for children are widely used. There is
generally a lack of information on essential medicines and insufficient dissemination of policy
documents. However, recently, solid formulations such as AL dispersible are becoming known and
easily accepted by HPs. In Gabon and Benin, AL dispersible treatments are among the primary
antimalarials sold today and the dispersible formulations are rapidly replacing the liquid ones. As
previously noted, 25% still prescribe AQ monotherapy to treat noncomplicated malaria in the formal
private sector in any given country – mainly Pfizer’s Camoquin® and in Mali this figure is up to 14%.
When prescribers recommended a nonpolicy antimalarial, it was due to one of the following
reasons:
- Lack of information on policy and recommendations,
- Preferences and habits,
- Poor previous experience, in particular with AQ,
- Lack of time to provide dispensing advice (particularly in the case of ASAQ, which is not
flavour-masked). Many interviewees indicated that with good dispensing training, and
particularly in well-run and supervised programmes, adherence to ASAQ therapy is
excellent. In the absence of dispensing advice, syrups or other known paediatric
formulations appear easier to prescribe than solid paediatric formulations, since the
latter is a new concept.
- Influence by commercial representatives, who are often a key source of information,
specifically in the private sector,
- In some cases, financial incentives impact HP judgement.
Michael Ramharter has documented similar findings in his study, particularly regarding the role of
medical sales representatives and manufacturers advertising50
. Medical representatives were cited
as the second source of information by professionals5.
50
M Ramharter et al, accessed 12/2/12 at
http://www.mmv.org/sites/default/files/uploads/docs/events/ASTMH2010/1_Michael_Ramharter.pdf
25
Scientific information, sensitization and supervision of health workers, with focus and involvement
of private sector providers, is a priority and key to increasing universal access to malaria program
interventions. Moreover, coordination among partners via systematic training meetings under the
NMCP leadership is also viewed as a priority. Technical working groups would strengthen the
focus on children’s malaria treatment and coordinate advocacy and sensitization. Additional
partners may include civil society representatives along with Ministries of Families, as activated
women (mothers) may help accelerate rational use of antimalarials via community sensitization.
In addition, in the private sector, pharmacists often have an advising role as families are trying to
save money and time by consulting directly at the pharmacy, and yet most of pharmacists’
scientific information is coming from the pharmaceutical companies themselves. As a key actor to
promote rational use of medicines, pharmacists could be further enlisted in national health initiatives
designed to give them evidence-based scientific information instead of leaving this space to
representatives from the pharma industry. Furthermore, pharmacists may play a larger role in the
future to provide diagnosis for malaria, and could follow an algorithm prepared by the “physicians’
association” whereby if patients test positive for uncomplicated malaria, they would prescribe an
ACT under a mechanism of “collective prescriptions” such as in Quebec
(http://www.espaceitss.ca/20-fiches-thematiques/les-ordonnances-collectives-s-outiller-
autrement.html?pageEnCours=2)51
. They would be included into the public health system instead of
having a prescription right by “derogation” today. Pharmacists could officially prescribe antimalarials
as they do with antiretrovirals in some countries (but financing mechanisms would need to be
defined).
National College of Pharmacists (“ordre des pharmaciens”) are positive about such involvement of
private sector pharmacists, provided they are involved in design discussions, and receive support to
set up these initiatives. A pilot could be performed in some pharmacies, bolstered with
communication from the Ministry of Health.
There is one caveat in terms of access for the poorest patients: most pharmacists are in larger cities,
and thus not in areas where major gaps impact health care coverage and medicines supply in rural
areas of Africa. There is on average 1 pharmacist per 10,000 inhabitants in this part of Africa versus 5
pharmacists per 10,000 inhabitants in Europe52
.
In Gabon, a similar model of engaging pharmacists has recently been proposed by an interviewee. It
requires a strict supervision of pharmacists in alignment with the physicians’ association, and hinges
on an agreement with the “ordre des médecins”. In Senegal and Benin, malaria training financing for
pharmacists was requested, with the aim to integrate pharmacists into the malaria programme.
Faith-based organizations play an important role in health care in most of these countries. In faith-
based organizations integrated with the public sector, training of HPs should occur as part of
district training programs. However, it is often difficult for the faith-based organizations HPs to
attend lengthy public sector trainings. Most major faith-based organizations organize yearly national
training seminars with all HPs as well as monthly regional trainings. In general, they are not
51
Pr Diane Lamarre, president, Quebec «Ordre des pharmaciens» and pharmacists without borders: «As there is a lack of
physicians in Quebec and many people don’t have a general practitioner, in order to improve the health system efficiency
and build upon the quality of relationship of communities with their pharmacist, the “collective prescription” initiative was
started in 2002. It aims at extending the responsibilities of pharmacists, while keeping the physicians at the center of the
initiative. These collective prescriptions are in place for hypertension, diabetes, anticoagulants, first-quarter pregnancy
nauseas.” The process is as follows: Two or three-page algorithms have been designed by physicians so that pharmacists
may initiate, follow up treatment or refer to the physicians on the basis of specific symptoms. 52
WHO 2010 health statistics, accessed 2/1/12 at http://www.who.int/whosis/whostat/FR_WHS10_Full.pdf
26
sufficiently informed about quality-assured paediatric formulations, and have indicated they would
welcome timely and accurate information.
E2. Levers of change
1. INFORMATION, EDUCATION & SENSITIZATION OF HPS, WITH FOCUS ON THE PRIVATE SECTOR, REGARDING
NATIONAL AND INTERNATIONAL GUIDANCE ON THE USE OF QUALITY-ASSURED ACTS AND RDTS
Reinforcement of knowledge for all sectors and all HP categories, including faith-based
organizations, pharmacists, distributors, health insurances professionals, should be encouraged
under the direction of the Ministry of Health.
Regionally, under WHO leadership, with UNICEF and RBM, the following focal points could be
engaged:
- Western and Central Africa health organizations (OOAS, OCEAC: Dr Victoire Benao), a
commission specifically working on malaria may be proposed,
- Paediatricians organizations: the regional network “Sub Saharan Francophone Africa
paediatrician” & the UNAPSA, “Union des Société et Associations de Pédiatres
d’Afrique”, headed by Dr Paul Koki, Cameroon,
- Pharmacists: the CIOFP Conférence Internationale des Ordres de Pharmaciens
Francophones organizes an Inter-African forum each June. Dr Toukourou, Benin
pharmacists’ association president, is also deputy head of the sub-Saharan Africa
section of the CIOFP. The next meeting could focus on priority paediatric
antimalarials, i.e. recommended and quality assured. The ACAME, the African
Association of Central Pharmacies, is also a key stakeholder in this endeavour,
- ALMA: key for sensitization of political leaders.
2. FURTHER INVOLVEMENT OF PHARMACISTS REGARDING PATIENT CARE
Involvement of pharmacists should remain a priority. Taking into account the key role of
pharmacists in advising patients, they may be licensed to engage further by administering
RDTs and orienting patients on malaria treatment and follow-up, based upon an algorithm
prepared by the physicians association (“ordre des médecins”) under a mechanism of
“collective prescriptions”. A pilot could be conducted in some pharmacies, in parallel with
MOH communication. PMI, as a strong supporter of private sector initiatives, could be
approached to discuss such a pilot.
3. HOW MMV MAY FACILITATE BETTER KNOWLEDGE AMONGST HPS
- Facilitate sensitization at international, regional and national levels,
- Consider highlighting and disseminating evidence about experiments where pharmacists
are officially involved in patients’ care under a mechanism of “collective prescription”.
F. Monitoring & evaluation
Monitoring constitutes a barrier to access to recommended quality-assured solid paediatric
treatments for noncomplicated malaria.
27
There is insufficient monitoring of cases, policy implementation, and supply consumption in the
field. In addition, PV is nascent and slowly is becoming a priority. There were repeated requests
for support to help improve supply monitoring.
Monitoring of cases, of policy implementation and of ACT consumption in the field are critical both
in the public and private sectors. Monitoring of prescriptions is basically nonexistent in the latter.
In the public sector, NMCPs do track the use of donor-funded malaria medicines, in addition to
tracking by the central pharmacy for all essential medicines supply.
As noted above, ACT coordination committees are either in place or being set up, to strengthen
coordination between partners.
Prescriptions monitoring. In Senegal, the NMCP has set up quarterly meetings with each district to
review cases and case management indicators in the public sector (including volume of cases tested,
cases confirmed, and ACTs dispensed). ACTs are theoretically only provided on the basis of a positive
RDT. Monitoring and evaluation is becoming a priority for all countries, and partners, particularly
PMI, are supporting the development of supervision and monitoring /evaluation, along with capacity
building. There is basically no monitoring of prescriptions in the private sector; in some cases
where national insurance may play a larger role in the future, functional monitoring of systems
may become more viable.
PV is nascent, with few adverse event notifications in most countries. In Senegal, PV has been
developed with ACTs in 2007 under the NMCP’s leadership, and slowly extended to other diseases
in the public sector. The goal is to transition accountability to the National Poison Control Center
under the NMRA’s authority.
Support to facilitate supply availability via monitoring appeared as a key area for consideration by
MMV.
Levers of change
1. MONITORING OF CASES AND PRESCRIPTIONS TO IMPROVE CASE MANAGEMENT TRACKING IN PUBLIC SECTOR
This will complement the work to strengthen capacity on supply chain management, which
is a main focus for several partners’ work, including PMI and the GFATM. Strengthening the
case management working group, under the leadership of the NMCP, may be a key lever to
increase ACT availability, rational use and coordination between partners.
2. SUPERVISION OF PRESCRIPTIONS IN THE PRIVATE SECTOR
Improving supervision in this area can help monitor adherence to guidelines, along with
private sector sensitization.
National insurance schemes may become a lever of change in this area, and
communication with these institutions is recommended.
3. STRENGTHENING OF A PERMANENT AND REGULAR PHARMACOVIGILANCE SYSTEM
WHO and the GFATM, among others, are focusing on this critical area – it is a long-term
proposition, and will require significant investment, training, and supervision to create
functional national PV systems that work across both public and private sectors.
4. HOW MMV MAY SUPPORT IMPROVED MONITORING AND EVALUATION
Advocate for the development of effective PV systems.
Driver of
change
28
Encourage the work of ACT coordination committees to increase coordination between
partners, involving key stakeholders, including national insurance representatives.
G. Acceptability by communities
Demand by consumers is a barrier to access to recommended quality-assured solid paediatric
treatments for noncomplicated malaria. Addressing consumer acceptance could be a key driver to
increase the use of quality paediatric ACTs.
Many caregivers are used to using antimalarial treatments stored at home or purchased from
informal vendors to treat children with fever. Chloroquine is still frequently sold in the informal
sector. Community sensitization can help diminish tendencies to self-medicate, and to promote
the rational use of quality products.
Crushing adult tablets for children both in the public sector and in the private sector is still widely
practiced, in part because it is perceived to be a cheaper alternative than buying paediatric syrups.
Dispensing training may help rectify this tendency, since quality dispersible medicines for children
are less costly than syrups and comparable in price to quality adult ACTs. Health-care professionals
should be sensitized to the importance of this dispensing training, and in addition, community
workers, HBM agents and pharmacists may become good promoters for correct dispensing
information.
G1. Community awareness of diseases, treatments & timing to seek care
Most interviewees agreed that sensitizing communities is a good opportunity to drive change in
consumption patterns. Caregivers are willing to use quality paediatric treatments as evidenced in
HBM programmes, even more so when positive results are readily detected.
Price is an important driver for community acceptance, as is ease of use. Although communities may
initially have biases in favour of liquid formulations, they can readily accept a solid paediatric
formulation when proper dispensing instructions are shared with them. Moreover, interviewees
indicated that effervescent formulations have a strong positive image, which should facilitate the use
of solid child friendly formulations; to the contrary, the crushed tablet is perceived as the “treatment
of the poor”. All interviewees agreed that households generally have access to plastic containers
suitable for dissolving the soluble or dispersible pill.
Dispensing training is paramount. Since HPs may be hard pressed to find
the time to explain first-time use, the role of pharmacists and community
healthworkers could be key. In each village, health agents or “badienou
gokh” (community mammas) such as in Senegal are highly respected and
close to the communities, and can reinforce proper dispensing. For
instance with ASAQ (not flavour masked), after proper instructions on how
to administer with sweet tasting food to mask the taste, children and
mothers were said to easily accept the treatment.
29
Driver of
change
Self-medication, traditional healers, and the informal drug market are major issues in all six
countries. Mothers often go directly to the “ambulant” (mobile street drug seller) because of a
combination of financial constraints, long wait times at health centres, and stockouts of ACTs in the
public health centre drive them to seek alternatives. Reinforcement of community sensitization is
key to promote rational use of quality products.
G2. Patient access to care via HBM
HBM may be an efficient complement to primary health centres, and HBM and/or pharmacists
may have a major role to expand access to relevant care and quality medicines. Preliminary data
show that HBM can dramatically decrease patient reliance on informal market vendors. In a meeting
in Mali with mothers, relais and other HPs in the context of PNLP/PSI CCM programme, all pointed to
the following clear benefits of the programme: better and faster access to care, effective treatment
for approximately a third of the previous price (1,000 to 1,500 versus 4,500 CFA previously), and far
fewer cases of severe malaria needing referral to the CSCOMs. Mothers were specific in relaying
positive comments about the treatment and did not express any concern about the solid formulation
after they were shown a first administration. HBM is a priority for several partners including UNICEF,
GFATM and PMI, and its harmonization and expansion within the health system are critical.
G3. Levers of change
1. COMMUNITY SENSITIZATION IS PARAMOUNT
• NMCPs have generally been very open to considering various means to sensitize and
inform, in partnership with grassroots NGOs (including TV spots in local language,
educational “causeries” (chats) in the village or church, radio spots using famous
actors and musicians, religious leaders, clubs against malaria in schools),
• Under the NMCP leadership, potential partners may include Women’s Community-
Based Management Organizations (CBOs), faith-based organizations and churches
heads, village heads, the Ministry of Families, GFATM, WHO, PSI, and other civil
society organizations and grassroots NGOs,
• Women from the communities may be empowered to take the leadership of the
campaigns.
2. DISPENSING TRAINING
Sensitization of HPs on the importance of dispensing training, along with the availability of
oversight from pharmacists, HBM agents and/or “community mammas” to reinforce that
dispensing training. Visuals support materials can help, and manufacturers should be
encouraged to develop these dispensing education tools.
3. STRENGTHENING & COORDINATION OF HOME-BASED MANAGEMENT PROGRAMMES
These are a priority for GFATM, PMI, and UNICEF among other partners.
4. HOW MMV MAY FACILITATE RATIONAL USE OF RECOMMENDED QUALITY-ASSURED SOLID PAEDIATRIC ACTS
- Encourage partners engaged in community sensitization work,
- Work with pharma partners to ensure adequate dosing and dispensing instructions are
developed, with appropriate visual materials.
30
IV. WHAT CAN MMV DO NOW?
MMV should consider the following areas where it may directly or indirectly be able to support faster
and broader adoption of WHO-recommended quality-assured paediatric ACTs, with primary focus on
international level activities and indirect facilitation of national level activities.
A. Priorities
I. Advocate for recommended quality-assured paediatric ACTs with a three-pronged focus on:
- Recommended ACTs and their rational use, including RDT use, the importance of dispensing
training, and PV,
- The quality of paediatric medicines and quality assurance,
- Restrict the use of non-AS monotherapies to their indications, i.e. NOT for treatment of
noncomplicated P. falciparum malaria, and phase out non-3-day ACT therapy.
Such advocacy has the following objectives:
Barrier Objective of the interventions
NEML and/or local protocol refer to ACTs
that are not FDC or not quality assured,
and do not stipulate market withdrawal
of nonartemisinin monotherapies for
therapeutic use.
To facilitate the update of the policy and policy
documents (NEML & local protocol), including a
phase out of ALL monotherapies for treatment of
noncomplicated P. falciparum malaria with
restriction of the use of non-AS monotherapies to
their indications.
HPs not sensitized to recommendations
regarding the quality of medicines.
To sensitize HPs on recommendations, including use
of RDTs, monotherapies, quality, paediatric
formulations.
II. Facilitate the availability & prioritization of quality-assured paediatric ACTs
Such prioritization has the following objectives:
Barrier Objective of the interventions
Quality-assured products are not recognized
as such by most HPs and pharmacists.
To increase the visibility of quality-assured
ACTs, so they may get a commercial advantage.
Most paediatric ACTs are not quality assured. To encourage more manufacturers to seek
WHO prequalification for paediatric-designed
medications.
Insufficient sensitization to the concept of
quality and quality assurance of paediatric
antimalarials.
Increase awareness on issues regarding poor
quality treatments and on benefits of quality
assurance.
31
III. Facilitate a better alignment of the antimalarials used with national guidelines and WHO
recommendations
This has the following objectives:
Barrier Objective of the interventions
In many countries, only chloroquine and
AS oral monotherapies are banned.
To encourage the restriction of the use of non-AS
monotherapies to their indications and the phasing
out of their use for treatment of noncomplicated P.
falciparum malaria, at international and national
levels, and facilitate the switch to recommended
products.
AQ and SP monotherapies are largely
used for treatment, including in children.
To phase out those monotherapies for therapeutic
use
IV. Advocate for the creation or strengthening of functional national PV systems
This has the following objectives:
Barrier Objective of the interventions
There is minimal if any information on the
safety of antimalarials once they are marketed.
To facilitate the set up or strengthening of a
functional PV system in country.
V. Contribute to strengthening the supply chain
This has the following objectives:
Barrier Objective of the interventions
Stockouts are a major issue in all six countries,
in part related to insufficient stock
management.
To strengthen stock management capacity,
including consumption monitoring
mechanisms.
Pharmacists have an important counselling role
yet they struggle with little scientific
information and no official prescribing role.
To engage pharmacists as an additional
official point of entry into the health system.
B. Proposed interventions
According to Brenda Waning, Boston University, the analysis of the field of paediatric antiretrovirals
show that two elements were instrumental to improve the availability of new formulations and
reduce prices: sensitization/advocacy and positive business case/financials including clearer
descriptions of potential demand. Dialogue was critical with countries to decrease policy barriers
and with manufacturers to encourage them to develop quality products53
.
53
B. Waning, 2010, Evidence from the ARV field accessed on 15/2/12 at
http://www.mmv.org/sites/default/files/uploads/docs/events/ASTMH2010/2_Brenda_Waning.pdf
32
B1. Sensitize and advocate for recommended quality-assured paediatric ACTs This includes a three-pronged focus on: (a) recommendations re: case management and rational
use; (b) reinforcing messages re: quality; (c) removing non-3-day ACT therapies and resctricting the
use of nonAS monotherapies to their indications.
1. MMV can consider bundling relevant scientific information, with the goal of reinforcing the
public health advocacy from the WHO’s Better Medicines for Children effort that prioritizes
quality-assured paediatric ACTs. National, regional and global data may be used, with focus on
efficacy, tolerance, effectiveness, adherence, stability and cost-effectiveness of paediatric
formulations. A summary of data regarding solid versus liquid formulations with regards to
quality assurance would be important. In addition, it will be important to develop a synthesis of
arguments to restrict the use of non-AS monotherapies to their indications and phase out their
use for treatment of uncomplicated P. falciparum malaria, as well as clear information on the
importance of dispensing information and dosage preparation and on compliance with national
treatment guidelines.
2. REGIONALLY/INTERNATIONALLY
MMV may share information, sensitize and advocate, as follows:
a. Via existing networks, engage regional political leaders, professional associations, in
close partnership with WHO, RBM and UNICEF. These groups may share best practices
during their conventions:
o Health Ministers via ALMA: the African Leaders Malaria Alliance can be a good forum
to strengthen senior political will and energize a focus on better medicines for
children and on the restriction of the use of non-AS monotherapies to their
indications.
o Regulators, via the pharmaceutical departments of UEMOA in Western Africa, OCEAC
in central Africa, and with OOAS (West African health organization), where a
commission working specifically on malaria could be an option.
o Paediatricians and nurses, via the regional network “sub-Saharan francophone Africa
paediatricians” and the “Union des Sociétés et Associations de Pédiatres d’Afrique”,
UNAPSA, under the leadership of Pr Paul Koki from Cameroon. These professional
associations are key to disseminate and promote scientific information. Regional
PCIM technical coordination, under leadership of Pr Blaise Ayivi, Benin, should also
be involved.
o Pharmacists and international distributors, via the African group of the CIOPF, the
“international conference of the francophone pharmacists association”, and their
inter African forum. The ACAME, the African Association of Central Pharmacies, is a
key stakeholder in this endeavour.
o Faith-based international organizations.
b. Organize regional workshop(s), with WHO, RBM and UNICEF, with the aim to share best
practices between networks.
c. Facilitate a regional technical working group focus on children’s medicines, and
particularly antimalarials, under the leadership of WHO and/or UNICEF, including, in
addition to the regional representatives mentioned above, national “champions” who
will establish regional priorities, promote best practices and thrive to accelerate access
to recommended quality assured paediatric ACTs in their own country.
d. Engage multilateral and bilateral donors committed to malaria to support these efforts
to prioritize paediatric ACTs that are both recommended and quality assured.
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3. NATIONALLY
MMV is not positioned to have a direct role in implementation and should instead identify in-
country organizations and mechanisms to influence and disseminate information at country
level, with the NMCP, WHO, RBM and national “champions”. These players should be
encouraged to undertake these areas of work:
a. The set up or strengthening of a national technical case management working group
focusing on children’s medicines including malaria, under the leadership of the
MOH/NMCP with strong WHO support, and including NMRA, physicians and
pharmacists associations “orders”, researchers, paediatric societies, partners, national
insurance representatives. This group will review relevant evidence for national
decision making, and in turn facilitate the following:
b. A national consensus workshop in order to revise the NEML and local protocol and
review a timeline for removing all monotherapies and non-3-day ACT therapies for
treatment of uncomplicated malaria, under the leadership of the MOH/NMCP, with
strong WHO support. Such workshop will also involve key malaria stakeholders and
include national insurance representatives. The recommendations will support the MOH
in revising the NEML and treatment protocols.
c. A revision of the list of approved/to be approved antimalarials, under the leadership of
the MOH/NMRA. The expert committee, or national “drug commission”, will in turn
provide recommendations on licensing to the NMRA.
d. Information, education and sensitization of HPs in the public, faith-based and private
sectors, under the leadership of the NMCP, with strong WHO support. This can
leverage RBM resources, researchers, key opinion leaders, central pharmacies and HP
organizations, and should target:
o Paediatricians, nurses, midwives and HPs who see children, via the national
paediatricians scientific society,
o All physicians and practitioners, via the physicians’ association,
o Nurses via their association,
o Pharmacists and distributors, via the national pharmacists association; those will
in turn train their employees,
o Faith-based organizations HPs and pharmacists,
o Health students (physicians, nurses, pharmacists), with the Ministry of Education,
o National insurance physicians.
The focus of this sensitization should be on the use of quality-assured antimalarials and
recommended paediatric ACTs.
e. Official ceremonies as a good and recurrent complement to the sensitization training.
f. A community sensitization campaign
This could be conceived and implemented with NMCP leadership, and with engagement
of the Ministry of Women and families, civil society representatives and women-
empowerment organizations. The campaign may focus on community education about
how to react when a child has fever, on the role of government-recommended
treatments for children, and on the difference between quality-assured paediatric
treatments and other drugs on the market.
B2. Facilitate the availability & prioritization of quality-assured paediatric ACTs
1. Explore the possibility of raising visibility of quality-assured ACTs in the private sector for
instance with a specific logo, such as “approved by the GFATM”. This increased visibility, in
combination with improved regulatory monitoring and sensitization campaigns could offer
distributors and sellers a commercial advantage to induce them to prioritize quality-assured
products. This borrows from a similar strategy used by the AMFm, with a larger application for
all quality-assured products.
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2. Encourage more manufacturers to seek WHO prequalification or a stringent regulatory
approval for paediatric specific treatments. This may be via a supportive facilitation of their
regulatory approval processes and/or national registration work. The QUAMED project
(http://www.quamed.org/fr/accueil.aspx) may be a key partner in that endeavour.
3. Advocate on the international scene for an increased quality of antimalarials in francophone
Africa, in parallel to a national level sensitization to quality.
B3. Facilitate a better alignment of the antimalarials used with national guidelines and
WHO recommendations
1. Engage WHO and RBM to facilitate a better alignment of the products used with national
guidelines and WHO recommendations, via national policies, regulations, recommendations and
sensitization.
2. Activate and maintain the focus of international agencies around enforcing a code of conduct
with manufacturers from whom they procure. Stopping commercialization of all antimalarial
monotherapies for therapeutic use of noncomplicated malaria with restriction to the products
actual indications in a controlled setting should be a contractual condition for a manufacturer to
be able to sell other drugs to an international buyer (For example UNICEF, GFATM, GAVI, MSF).
3. Seek appropriate ways to support the Mali and Benin NMRAs and MOHs to take action against
large use of AQ monotherapy to treat P. falciparum noncomplicated malaria.
B4. Set up or strengthen functional national PV system
1. Continue to engage with WHO, the GFATM, INESS and other partners regarding the
strengthening of national PV systems, for the collection of safety data on antimalarials initially,
to be secondarily extended to other medicines.
2. Advocate for donors to support the improvement of PV, and emphasize the increased
importance of this at a time when several new quality-assured products are entering African
markets.
B5. Contribute to strengthening the supply chain
1. Disseminate the results of current stock management pilot initiatives (e.g. SMS for Life) to help
countries analyse new options to strengthen stock management. It is noteworthy that almost
all countries signalled stock management as a key concern for improving access to better
medicines for children.
2. Initiate a pilot project whereby pharmacists are officially involved as an entry point into the
health system, under a mechanism of “collective prescription”, to manage cases. This
engagement of pharmacists in reinforcing proper case management (by correctly using RDTs and
then dispensing ACTs as needed) could be based on an algorithm prepared by the “ordre des
médecins”. A pilot for such an initiative may be performed in select sites, under the guidance of
the MOH.
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V. CONCLUSION
This survey identifies main barriers and potential drivers to improve access to quality-assured
paediatric ACTs in six countries: Benin, Burkina Faso, Cameroon, Gabon, Mali and Senegal. We
provide specific recommendations and strategic areas of intervention for consideration by MMV.
These primarily aim to facilitate a better alignment of the antimalarials used with the national
guidelines and WHO recommendations and focus on bundling of relevant information, broad
multilevel advocacy and sensitization to the concepts of:
- Recommended ACTs and their rational use, including RDT use, dispensing training, and
PV,
- Product quality and quality assurance,
- The restriction of the use of nonAS monotherapies to their indications and the phase
out of non-3-day ACTs for treatment of noncomplicated P. falciparum malaria.
This work ultimately seeks to facilitate policy and regulatory updates, and to create a message
impact for HPs, pharmacists and community health programs. As described, MMV will need to
define its appropriate role vis-à-vis WHO and national partners, depending on the nature of the
suggested intervention.
In addition, MMV should contemplate how it can support efforts to increase the visibility and
prioritization of quality-assured products in the private sector. Given MMV’s work with many
manufacturers that have elected to step up to the quality hurdle, MMV can explore how to
incentivize more manufacturers to seek quality-assured status for medicines for children.
MMV advocacy can also be tapped to support a WHO-led messaging effort that seeks to restrict the
use of non-AS monotherapies to their indications and stamp out non-3-day ACTs for treatment of P.
falciparum malaria. With regards to supply chain improvements, MMV can document its experience
with pilot activities to strengthen supply chain management and ensure that countries understand
the lessons learned to date.
Last, MMV may consider how to encourage countries to conduct a pilot whereby pharmacists may be
officially enrolled under the MOH and physicians’ association control to initiate case management.
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VI. APPENDIX: METHODOLOGY
The current study, commissioned by Medicines for Malaria Venture (MMV), aims to understand
the barriers and potential levers to facilitate the adoption of paediatric ACTs that are both
recommended and quality assured, to treat noncomplicated malaria in children in francophone
Africa. This work is qualitative and based upon secondary and primary research in Benin, Burkina
Faso, Cameroon, Gabon, Mali, and Senegal.
Francophone countries have been selected in consultation with the MMV access team based upon a
set of selection criteria focused on the Western or Central Africa region, malaria burden, population,
first-line ACT treatment, and malaria funding levels, so as to provide a sufficient variety of
experiences and allow actionable recommendations.
Primary research involved interviews with decision makers, influencers and key in-country malaria
stakeholders representing the following three sectors: 1. Government, 2. NGO/faith-based
organizations/donors and 3. Private sectors. These in-country interviews were organized in
partnership with the NMCP and the WHO in each of these 6 countries. In addition, interviews with
international experts and organizations were conducted.
Government sector, parastatal organizations and regulatory bodies
- Central pharmacy
- Medical School – Public Hospital Researchers
- Ministry of Health – “Direction de la santé”
- Ministry of Women’s Empowerment and the Family (in Cameroon)
- National Insurance
- National Malaria Control Programme
- National Medicines Regulatory Agency
- WHO malaria and essential medicines departments in country office
NGO – faith-based organizations – donors
- Catholic, Baptist or Muslim health centres
- Civil society organizations
- Global Fund/Principal Recipient
- Main NGOs and development partners in country: PSI, MSF, etc.
- PMI in Mali, Senegal, Benin
- UNICEF
Private sector
- Ordre National des médecins
- Ordre National des Pharmaciens
- Paediatric Association
- Private distributors and wholesalers
- Private sector pharmacists association
International organizations
- GFATM
- MSF
- RBM
- WHO EMP and GMP
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Interviews occurred between July 2011 and February 2012. The interview guideline is based upon a
WHO EMP framework for the evaluation of access to medicines, with the permission of Drs Suzanne
Hill and Gilles Forte. Interviews focus on the following 7 potential barriers to access:
1. Policy
2. Regulatory
3. Manufacturing and supply
4. Financing
5. Demand by health professionals
6. Monitoring & evaluation
7. Acceptability to consumers
This report constitutes the executive summary of the study and complements six individual
country reports. This executive summary, along with the individual country reports, includes the
recommendations for MMV based on the overall survey results in the six target countries.